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Unfair, Deceptive, or Abusive Acts or Practices (UDAAP) Webinar 2012 Fran Sponsler, CRCM, CAMS, CCBCO Fred Lutz, CRCM Val Vought, CCBCO

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Page 1: Unfair, Deceptive, or Abusive Acts or Practices (UDAAP) Webinar 2012 Fran Sponsler, CRCM, CAMS, CCBCO Fred Lutz, CRCM Val Vought, CCBCO

Unfair, Deceptive, or Abusive Acts or Practices (UDAAP) Webinar 2012

Fran Sponsler, CRCM, CAMS, CCBCOFred Lutz, CRCM

Val Vought, CCBCO

Page 2: Unfair, Deceptive, or Abusive Acts or Practices (UDAAP) Webinar 2012 Fran Sponsler, CRCM, CAMS, CCBCO Fred Lutz, CRCM Val Vought, CCBCO

UDAAP

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Under the Dodd-Frank Act §1026 it is unlawful for any provider of consumer financial products or services or a service provider to engage in any unfair, deceptive, abusive act or practice.The Consumer Financial Protection Bureau (CFPB) gained control of the UDAAP in July, 2011.

Page 3: Unfair, Deceptive, or Abusive Acts or Practices (UDAAP) Webinar 2012 Fran Sponsler, CRCM, CAMS, CCBCO Fred Lutz, CRCM Val Vought, CCBCO

Legal Framework

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The Act also provides CFPB with rule-making authority, and with respect to entities within its jurisdiction, enforcement authority to prevent unfair, deceptive, abusive acts or practices in connection with any transaction with a consumer for any consumer financial product or service. There are also FTC Amendments and Regulation AA including Cosigner Notices; Contractual Provisions and Pyramiding Late Fees.

Page 4: Unfair, Deceptive, or Abusive Acts or Practices (UDAAP) Webinar 2012 Fran Sponsler, CRCM, CAMS, CCBCO Fred Lutz, CRCM Val Vought, CCBCO

Making the Rounds

What is UDAAP?Why it’s high risk.What can you do about it?

What is UDAAP?Why it’s high risk.What can you do about it?

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Page 5: Unfair, Deceptive, or Abusive Acts or Practices (UDAAP) Webinar 2012 Fran Sponsler, CRCM, CAMS, CCBCO Fred Lutz, CRCM Val Vought, CCBCO

The Golden Rule

UDAAP supplements other regulations.Is a general catch-all.Is the golden rule for all that is good and fair!

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Page 6: Unfair, Deceptive, or Abusive Acts or Practices (UDAAP) Webinar 2012 Fran Sponsler, CRCM, CAMS, CCBCO Fred Lutz, CRCM Val Vought, CCBCO

What do you mean, Unfair?

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The standard for unfairness in the Dodd-Frank Act is that an act or practice is unfair when:It causes or is likely to cause substantial injury to consumers;The injury is not reasonably avoidable by consumers; andThe injury is not outweighed by countervailing benefits to consumers or to the competition.

Page 7: Unfair, Deceptive, or Abusive Acts or Practices (UDAAP) Webinar 2012 Fran Sponsler, CRCM, CAMS, CCBCO Fred Lutz, CRCM Val Vought, CCBCO

Unfair Defined:

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Causes or is likely to cause substantial consumer injury:Injury must be substantial and unavoidable;Loss of free exercise of decision-making;Undue influence.For example…In certain circumstances, such as unreasonable debt collection harassment, emotional impacts may amount to or contribute to substantial injury.

Page 8: Unfair, Deceptive, or Abusive Acts or Practices (UDAAP) Webinar 2012 Fran Sponsler, CRCM, CAMS, CCBCO Fred Lutz, CRCM Val Vought, CCBCO

Unfair Defined:

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Injury cannot be reasonably avoided:Material information withheld so their choice is not informed;Must be coercive or exert undue influence that will unreasonably impair consumer’s ability to make an informed decision; Lack of market alternatives and more than the consumer not picking the best product.The key question is not whether a consumer could have made a better choice but rather an act or practice hinders a consumer’s decision making. For example:Offering a “Rewards Account” when it is not clear how to earn the Reward or although a reward is offered, no one seems to meet the criteria for obtaining the reward. Are your practices for processing holds on demand accounts vs. savings accounts fair?

Page 9: Unfair, Deceptive, or Abusive Acts or Practices (UDAAP) Webinar 2012 Fran Sponsler, CRCM, CAMS, CCBCO Fred Lutz, CRCM Val Vought, CCBCO

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Unfair Defined:

Is not outweighed by countervailing benefits to consumers or competition:Look to net benefits, weighing:•Consumer costs and Regulatory burden.Public policy as established by statute, regulation, judicial decision or agency determination may be considered with all other evidence to determine whether an act or practice is unfair. However, public policy considerations by themselves may not serve as the primary basis for determining unfair.

Page 10: Unfair, Deceptive, or Abusive Acts or Practices (UDAAP) Webinar 2012 Fran Sponsler, CRCM, CAMS, CCBCO Fred Lutz, CRCM Val Vought, CCBCO

What do you mean, Deceptive?

A representation, omission or practice that is likely to mislead consumers:

False Statement/Misleading Claims:• Bait and switch or Omitting material information; Legal Standard is likelihood wherein intent is irrelevant; Analysis considers ad as a whole.

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Page 11: Unfair, Deceptive, or Abusive Acts or Practices (UDAAP) Webinar 2012 Fran Sponsler, CRCM, CAMS, CCBCO Fred Lutz, CRCM Val Vought, CCBCO

Deceptive Defined:

Who are acting reasonably in the circumstances presented:

Consider intended audience;Look at the net impression and the totality of

the circumstances;Fine print cannot correct conspicuous

statement.

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Page 12: Unfair, Deceptive, or Abusive Acts or Practices (UDAAP) Webinar 2012 Fran Sponsler, CRCM, CAMS, CCBCO Fred Lutz, CRCM Val Vought, CCBCO

Deceptive Defined:

Representation, omission, or practice is material: Likely to affect a consumer’s choice or conduct:• Express or Implied claims;• Omitting material information. Statements related to:• Purpose• Cost• Performance or quality• Benefits• Limitations

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Page 13: Unfair, Deceptive, or Abusive Acts or Practices (UDAAP) Webinar 2012 Fran Sponsler, CRCM, CAMS, CCBCO Fred Lutz, CRCM Val Vought, CCBCO

The “Four P’s” Test

The FTC’s “four P’s” test can assist in the evaluation of whether a representation, omission, act, or practice is likely to mislead.

o Is the statement prominent enough for the consumer to notice?

o If the information presented in an easy-to-understand format that does not contradict other information in the package and at a time when the consumer’s attention is not distracted elsewhere?

o Is the placement of the information in a location where consumers can be expected to look or hear?

o Finally, is the information in close proximity to the claim it qualifies?

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Page 14: Unfair, Deceptive, or Abusive Acts or Practices (UDAAP) Webinar 2012 Fran Sponsler, CRCM, CAMS, CCBCO Fred Lutz, CRCM Val Vought, CCBCO

Deceptive? For Example:

Disclosing fees for check items, rather than per item fee or per debit fee.

Travel Cards (TravelEx) – all the fees associated with the purchase of the card (bank fees) are not disclosed.

Providing the Opt-In disclosure when the Bank does not offer the “courtesy or privilege” overdraft product.

Providing incomplete itemizations of amount financed, i.e. Settlement Statements vs. Truth-in-Lending disclosures.

Providing a GFE when the loan is not subject to RESPA (are you bound by the figures you provided although the loan is not subject to RESPA?).

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Page 15: Unfair, Deceptive, or Abusive Acts or Practices (UDAAP) Webinar 2012 Fran Sponsler, CRCM, CAMS, CCBCO Fred Lutz, CRCM Val Vought, CCBCO

Unfair vs. Deceptive

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Comparison Chart

Unfair Deceptive

Likely to cause substantial injury

Likely to mislead consumers(Materially Presumed)

Injury cannot be reasonably avoided

Acting Reasonably

Net Benefits

Note: Distinction is mostly academic!

Page 16: Unfair, Deceptive, or Abusive Acts or Practices (UDAAP) Webinar 2012 Fran Sponsler, CRCM, CAMS, CCBCO Fred Lutz, CRCM Val Vought, CCBCO

What do you mean, Abusive?Materially interferes with the ability of a consumer to understand a

term or condition of a consumer financial product or service: Takes unreasonable advantage of a consumer’s:• Lack of understanding of the material risks, costs or conditions of

the product or service;• Inability to protect his/her interests in selecting or using the

financial product or service; or • The reasonable reliance that the Bank is acting in their best

interests.

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Page 17: Unfair, Deceptive, or Abusive Acts or Practices (UDAAP) Webinar 2012 Fran Sponsler, CRCM, CAMS, CCBCO Fred Lutz, CRCM Val Vought, CCBCO

The Role of Consumer Complaints

Consumer complaints play a key role in the detection of unfair, deceptive, or abusive practices. Consumer complaints have been an essential source of information for examinations, enforcement and rule-making for regulators. Consumer complaints can indicate weaknesses in elements of the institution’s compliance management system such as training, internal controls, or monitoring.

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Page 18: Unfair, Deceptive, or Abusive Acts or Practices (UDAAP) Webinar 2012 Fran Sponsler, CRCM, CAMS, CCBCO Fred Lutz, CRCM Val Vought, CCBCO

How does your institution handle a complaint?

While the absence of complaints does not ensure that unfair, deceptive, or abusive practices are not occurring, complaints may be one indication of UDAAPs. For example, the presence of complaints alleging that consumers did not understand the terms of a product or service may be a red flag indicating that the institution should take immediate action to resolve the basis of the complaint(s). Analysis of consumer complaints may assist the institution in the identification of potential unfair, deceptive, or abusive acts or practices.

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Page 19: Unfair, Deceptive, or Abusive Acts or Practices (UDAAP) Webinar 2012 Fran Sponsler, CRCM, CAMS, CCBCO Fred Lutz, CRCM Val Vought, CCBCO

Summarizing UDAAP

Missing/Inadequate/Confusing (not required) Marketing and Disclosures:

FeesPrerequisites LimitationsAsk the question: IS IT HARMFUL TO THE CONSUMER?

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Page 20: Unfair, Deceptive, or Abusive Acts or Practices (UDAAP) Webinar 2012 Fran Sponsler, CRCM, CAMS, CCBCO Fred Lutz, CRCM Val Vought, CCBCO

High Risks

Enforcement ActionsMonetary Penalties/JudgmentsLitigationNew Roommates

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Page 21: Unfair, Deceptive, or Abusive Acts or Practices (UDAAP) Webinar 2012 Fran Sponsler, CRCM, CAMS, CCBCO Fred Lutz, CRCM Val Vought, CCBCO

High Risk, Such As

Harm to Reputation

“When a bank engages in unfair and deceptive marketing practices, it damages its most precious asset – the trust and confidence of its customers.”

John D. Hawke, Jr.Comptroller of the Currency

June 2000

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Page 22: Unfair, Deceptive, or Abusive Acts or Practices (UDAAP) Webinar 2012 Fran Sponsler, CRCM, CAMS, CCBCO Fred Lutz, CRCM Val Vought, CCBCO

There is an ALTERNATIVE?

Review Marketing Materials:Is the message complete and accurate?Could it mislead the average customer?Is there an explanation missing, given how you

operate?BE PROACTIVE!

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Page 23: Unfair, Deceptive, or Abusive Acts or Practices (UDAAP) Webinar 2012 Fran Sponsler, CRCM, CAMS, CCBCO Fred Lutz, CRCM Val Vought, CCBCO

Watch Out!

Watch out for Limited Time Promotions: Duration must be clear; Validate changes that increase costs or reduce value; Send clear and timely notices of fees and other

changes.Choose Your Words Wisely: Limited Time; Pre-approved; Guaranteed; Lifetime

Rate; Free Anything; and Up to or as Low as.

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Page 24: Unfair, Deceptive, or Abusive Acts or Practices (UDAAP) Webinar 2012 Fran Sponsler, CRCM, CAMS, CCBCO Fred Lutz, CRCM Val Vought, CCBCO

More Considerations

Base analysis on your intended market; Promote consumer understanding.Products: Carefully select Third-Party Products• Is the vendor legitimate?• Is the product useful and of value?• Would you want your mother to buy it?

Avoid sales incentives that could lead to abusive practices.

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Page 25: Unfair, Deceptive, or Abusive Acts or Practices (UDAAP) Webinar 2012 Fran Sponsler, CRCM, CAMS, CCBCO Fred Lutz, CRCM Val Vought, CCBCO

Focus on the Overall Impression: Prominent:• The statement should be big enough to attract attention. Presentation:• Wording or format must be understandable. Placement:• Is the information in a location where consumers can be

expected to look?

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Action Plan

Page 26: Unfair, Deceptive, or Abusive Acts or Practices (UDAAP) Webinar 2012 Fran Sponsler, CRCM, CAMS, CCBCO Fred Lutz, CRCM Val Vought, CCBCO

Go Formal!

Develop a formal UDAAP Program:DisclosuresMarketingNew ProductsVendorsComplaints

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Page 27: Unfair, Deceptive, or Abusive Acts or Practices (UDAAP) Webinar 2012 Fran Sponsler, CRCM, CAMS, CCBCO Fred Lutz, CRCM Val Vought, CCBCO

Questions?

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Page 28: Unfair, Deceptive, or Abusive Acts or Practices (UDAAP) Webinar 2012 Fran Sponsler, CRCM, CAMS, CCBCO Fred Lutz, CRCM Val Vought, CCBCO

Thank You!Additional Questions? Please contact us:

Fran [email protected]

Fred [email protected]

Val [email protected]

1099 18th Street, Suite 2900Denver, CO 80202

303-296-6033www.fblg-cpa.com